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See also: [[followed by::IR 05000255/1993026]]


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{{#Wiki_filter:consumers  
{{#Wiki_filter:consumers Power l'OWERINli NllCHlliAN'S l'ROliRESS Palisades Nuclear Plant:
Power l'OWERINli  
27780 Blue Star Memorial Highway, Covert, Ml 49043 March 10, 1994 Nuclear Regulatory Commission Document Control Desk Washington, DC 20555 David W. Rogers Plant Safety and Licensing Director DOCKET 50-255 - LICENSE DPR PALISADES PLANT - REPLY TO NOTICE OF VIOLATION - NRC INSPECTION REPORT No. 93026 NRC Inspection Report No. 93026, dated November 24, 1993, forwarded the results of a special unannounced safety inspection in the electrical design control area.
NllCHlliAN'S  
The inspection report identified an apparent violation of NRC requirements pertaining to the operability of engineered safeguards room cooler fans and containment high pressure and containment high radiation actuation relays.
l'ROliRESS  
The NRC's {{letter dated|date=February 9, 1994|text=February 9, 1994 letter}} contained the Notice Of Violation for these two situations.
Palisades  
Our reply to the Notice of Violation is provided in the attachment to this letter.
Nuclear Plant: 27780 Blue Star Memorial Highway, Covert, Ml 49043 March 10, 1994 Nuclear Regulatory  
fl  
Commission  
~17 ()). f2rc v..-,1..J.(.\\L  
Document Control Desk Washington, DC 20555 David W. Rogers Plant Safety and Licensing  
'~
Director DOCKET 50-255 -LICENSE DPR-20 -PALISADES  
David W.. Rogers Safety and Licensing Administrator CC Administrator, Region Ill, USNRC NRC Resident Inspector - Palisades Attachment 9403160364 940310 PDR ADOCK 05000255 Q
PLANT -REPLY TO NOTICE OF VIOLATION  
PDR A CMS' ENERGY COMPANY  
-NRC INSPECTION  
 
REPORT No. 93026 NRC Inspection  
CONSUMERS POWER COMPANY To the best of my knowledge, information and belief, the contents of this submittal are truthful and complete.
Report No. 93026, dated November 24, 1993, forwarded  
Sworn and subscribed to before me this lQ_ day of __:.M-=a:..:....r=ch_,__ __  
the results of a special unannounced  
' 1994.
safety inspection  
Le Ann Morse, Notary Public Berrien County, Michigan Acting in V~n Buren County My commissjon expires:
in the electrical  
February 4, 1997
design control area. The inspection  
[SEAL]  
report identified  
 
an apparent violation  
ATTACHMENT Consumers Power Company Palisades Plant Docket 50-255 REPLY TO NOTICE OF VIOLATION;.
of NRC requirements  
NRC INSPECTION REPORT No. 93026 March 10, 1994 6 Pages  
pertaining  
 
to the operability  
REPLY TO NOTICE OF VIOLATION NRC VIOLATION - INADEQUATE DESIGN CONTROL MEASURES APPLIED TO CHANGE THE ENGINEERED SAFEGUARDS ROOM COOLER FAN MOTOR THERMAL OVERLOADS I.
of engineered  
10 CFR Part 50, Appendix 8, Criterion III requires in part that design control measures shall provide for verifying or checking the adequacy of design, including necessary design reviews, calculational methods, or performance of a suitable testing program.
safeguards  
Contrary to the above, on M~y 3, 1993, the design control measures 1
room cooler fans and containment  
* applied to change the engineered safeguaPds room cooler fah motor thermal overloads were inadequate.
high pressure and containment  
Specifically, the trip setpoints were set at or below the normal operating current and there was no adequate design review nor suitable testing to check the adequacy of the design.
high radiation  
Consequently, during the period from May 16 to June 5, 1993, the reactor was critical with the safeguards room cooler fans inoperable and incapable of performing their design function.
actuation  
This degraded the operability of ECCS and containment cooling equipment such that those safety systems could not have performed their intended function under certain conditions,_ in this case, absent prompt manual actions including*
relays. The NRC's February 9, 1994 letter contained  
trouble shooting and repairing the engineered safeguards room cooler fan motor thermal overloads.
the Notice Of Violation  
CPCo RESPONSE Admission of the Violation Consumers Power Company agrees with the alleged violation and has.Paid the civil penalty via letter -dated February 28, 1994.
for these two situations.  
Reason for the Violation The cause of the violation is attributable to (1) iriadequate d~sign control,*
* Our reply to the Notice of Violation  
(2) failure to confirm a design assumption in the calculation which was used.
is provided in the attachment  
as input to the setting specification, and (3) inadequate post maintenance testing.
to this letter. fl ()). f2rc ' ' v..-,1..J.(.\L David W .. Rogers Safety and Licensing  
The analysis of this event is documented in Lic~nsee Event Reports LER 93-008, submitted September 24, 1993, and LER 93-008-01, submitted November 24, 1993.
Administrator  
Corrective Actions and Results Achieved A.
CC Administrator, Region Ill, USNRC NRC Resident Inspector  
The thermal overload settings for all four of the engineered safeguards room cooling fans were reanalyzed, revised, and tested.
-Palisades  
The new settings were implemented using the specification change process which received a multi-disciplinary design review.  
Attachment  
 
9403160364  
2 B.
940310 PDR ADOCK 05000255 Q PDR A CMS' ENERGY COMPANY
Eight other thermal overload setting changes had been made using a "T-Frame" criteria ("T-frame" motors with a service factor of 1.0 using a Cutler-Hammer No. 789 relay). These setting changes were reviewed and it was found that the measured equipment running current was sufficiently below the overload setting.
CONSUMERS  
C.
POWER COMPANY To the best of my knowledge, information  
Additional thermal overload setting changes and breaker changes made during 1993 (approximately 40), other than the twelve "T-Frame" motors mentioned in corrective steps A and B above, were reviewed to ensure appropriate post maintenance testing was performed~
and belief, the contents of this submittal  
D.
are truthful and complete.  
A review of all 480-volt safety related motors at Palisades where thermal overload heaters are applied was completed including a mea~urement of running load amps (RLA).
Sworn and subscribed  
Adequate operability margins were verified for each motor by comparing the RLA at reduced voltage to the lowest possible heater trip setting. Safety related motor operated valves were not reviewed as part of this effort since the-thermal overloads for these motors are wired to annunciate only, not to trip the motors.
to before me this lQ_ day of __:.M-=a:..:....r=ch_,__  
E.
__ ' 1994. Le Ann Morse, Notary Public Berrien County, Michigan Acting in Buren County My commissjon  
To provide confidence in our setting specification methodology, a circuit protective device setting specification was requested from an independent design engineering organization for the engineered safeguards room fan motors and for five other power circuit protection schemes installed in the plant. This independent specification for the engineered safeguards room fan motors confirmed the preference for Hl046(A) heaters which were ultimately installed as described in A above.
expires: February 4, 1997 [SEAL]
The independent specifications for the other protection schemes identified no other inadequate settings or inappropriate setting methodology.
* ** ATTACHMENT  
F.
Consumers  
All setting sheet changes after Nov~mber 2, 1993 are to be completed using the specification change procedures of the plant modification and design control process. Also effective after November 2, 1993, specification changes affecting safety related equipment or having the potential for impact on plant availability, are to be submitted to a multi-disciplinary design review effort as is typically conducted for facility changes.
Power Company Palisades  
The multi-disciplinary design review requires a
Plant Docket 50-255 REPLY TO NOTICE OF VIOLATION; . NRC INSPECTION  
_dedicated design review team meeting.
REPORT No. 93026 March 10, 1994 6 Pages
The purpose of the meeting is to assure a collective understanding of design purpose, proposed configuration, and physical and functional design requirements to be verified and assures that proper verification test methods are specified for determining operability.
*** * REPLY TO NOTICE OF VIOLATION  
G.
NRC VIOLATION  
Internal correspondence with suggestions and considerations for appropriate post maintenance testing for implementation of setting sheet changes was completed and forwarded to the Electrical Maintenance Department.
-INADEQUATE  
Administrative Procedure 5.19, "Post Maintenance Testing,"
DESIGN CONTROL MEASURES APPLIED TO CHANGE THE ENGINEERED  
Revision 2, dated February 11, 1994, incorporated this guidance.  
SAFEGUARDS  
 
ROOM COOLER FAN MOTOR THERMAL OVERLOADS  
H.
I. 10 CFR Part 50, Appendix 8, Criterion  
Analyses were completed which evaluated the potential effect on the safeguards equipment assuming the safeguards room cooling fans failed to function during a postulated accident.
III requires in part that design control measures shall provide for verifying  
The analysis indicates that the effect of the loss of the engineered safeguards room cooling fans indicate that the temperatures in the east and west safeguards rooms would continue to rise during the post accident condition following the onset of recirculation of the containment sump.
or checking the adequacy of design, including  
It takes several days for the environmental qualification temperature of the most vulnerable equipment to be affected.
necessary  
I.
design reviews, calculational  
The results of a multi-discipline review group's root cause analysis of this and other recent design deficiencies was the subject of quarterly technical staff training for engineers and work planners. 'The completed training focused on the use of the formal design change process for implementing plant changes such as changes to circuit protective device.
methods, or performance  
settings, the need to validate assumptions used in design ~uch as expected values of normal 'running current, and the need for valid and comprehensive post modification testing.
of a suitable testing program. Contrary to the above, on 3, 1993, the design control measures 1 * applied to change the engineered  
Corrective Action to Avoid Future Non-Compliance A multi-discipline group was formed to review this event and others involving electrical design or modification.
safeguaPds  
The multi-disciplinary group identified plant activities that could result in the implementation of design changes without proper design change controls.
room cooler fah motor thermal overloads  
In particular, the review of maintenance and system engineering activities found that some activities had been implemented through the work order_process which may be design changes.
were inadequate.  
Operability determinations were performed if safety related equipment was affected. However, these determinations concluded that existing plant conditions are acceptable.
Specifically, the trip setpoints  
The possible design changes occurred in less than 1% of approximately 1350 work orders reviewed.
were set at or below the normal operating  
Longer term actions in the area of design control compliance to avoid further violations are ongoing and include the following:
current and there was no adequate design review nor suitable testing to check the adequacy of the design. Consequently, during the period from May 16 to June 5, 1993, the reactor was critical with the safeguards  
A.
room cooler fans inoperable  
Engineering performance improvement initiatives are being defined and scheduled. These initiatives reflect needed improvements in the area of management and leadership, prioritization and planning, safety culture*
and incapable  
and teamwork, assessment and human performance.
of performing  
These engineering initiatives are being integrated into an overall Palisades Performance Improvement Plan.
their design function.  
3 B.
This degraded the operability  
By June I, 1994 revisions to appropriate design control procedures will be completed outlining the requirements for a multi-disciplinary design review for all modifications affecting safety related equipment or having the potential for impact on plant availability.  
of ECCS and containment  
 
cooling equipment  
C.
such that those safety systems could not have performed  
By October 1, 1994 a review of protective device setting methodology and setting sheet implementation from a design control perspective will be completed to determine if any other weaknesses exist. Appropriate changes to existing design controls and protective device methodology 4
their intended function under certain conditions,_  
will be implemented as required.
in this case, absent prompt manual actions including*  
The effort will include the review of our system protection setting methodology by an experienced engineering consultant.
trouble shooting and repairing  
In addition, an engineering design guidance document will.be*
the engineered  
developed for specifying circuit protective device settings.
safeguards  
Date of Full Compliance Full compliance has been achieved.
room cooler fan motor thermal overloads.  
NRC VIOLATION - INADEQUATE DESIGN CONTROL MEASURES FOR THE SELECTION AND REVIEW FOR SUITABILITY OF PARTS, EQUIPMENT, AND PROCESSES ESSENTIAL TO SAFETY RELATED FUNCTIONS II.
CPCo RESPONSE Admission  
10 CFR 50, Appendix 8, Criterion III, requires in part that design contro 1 measures sha 17 be established-for the se 7ect ion and review for suitability of application, of parts, equipment, and processes essential to safety related functions.
of the Violation  
Contrary to the above, as of August 4, 1993, design control measures established for the selection and review for suitability of parts, equipment, and processes essential to safety related functions were*
Consumers  
inadequate..
Power Company agrees with the alleged violation  
Specifica77y, in 1990 containment high pressure and containment high radiation relays, equipment essential to safety related functions, were selected such that relays with nine or more normally closed contacts had an inadequately sized closing coil for operation under design conditions involving seismic events or minimum.,electrical voltage.
and has .Paid the civil penalty via letter -dated February 28, 1994. Reason for the Violation  
As a result, from the 1990 refueling outage until August 4, 1993, the containment h_igh pressure* and containment high radiation actuation systems were not capable of performing their intended safety functions under certain design basis conditions, i.e., seismic events or minimal electrical voltage conditions.
The cause of the violation  
CPCo RESPONSE ADMISSION OF VIOLATION Consumers Power Company agrees with the alleged violation.  
is attributable  
 
to (1) iriadequate  
REASONS FOR VIOLATION This violation occurred as a result of an original plant design deficiency. While it is true that improperly qualified relays were installed in the containment high pressure (CHP) and containment high radiation (CHR) circuits during the 1990 refueling outage, the newly installed relays were the same model number relay and coil and the contacts were configured the same as the existing original plant Gonstruction relays. This deficiency was perpetuated by procurement and installation of identical replacement relays.
control,*  
The relay replacement qualification, also, was not adequate.
(2) failure to confirm a design assumption  
Procurement of safety related equipment involves:
in the calculation  
: 1. Identification of critical design characteristics
which was used. as input to the setting specification, and (3) inadequate  
: 2. Identification of tests and/or analysis to verify that these critical design characteristics are satisfied
post maintenance  
: 3. Comparisqn of test results to acceptance criteria and/or review of analysis to ensure all critical design characteristics have been met.
testing. The analysis of this event is documented  
Procurement of these relays failed to completely identify all critical design characteristics and, thus, system and component interface deficiencies were not identified. A contributing cause was the l~ck of mechanical loading factor information which would have identified* the number of normally closed contacts as a critical. design c~aracteristic.
in  
5 However, if the relays had been tested in the configuration in which they were to be installed and proper acceptance criteria had been identified, testing of the relay would have identified the system/component interface defi ci enci es*..
Event Reports LER 93-008, submitted  
The analysis of this event is documented in Licensee Event Report LER 93-012, submitted November 24, 1993.
September  
CORRECTIVE ACTIONS AND RESULTS ACHIEVED
24, 1993, and LER 93-008-01, submitted  
: 1. The original test relay was retested to ensure the CHP and CHR relays configured with eight or less normally closed contacts would perform their function under all design parameters~
* November 24, 1993. Corrective  
: 2. The original test relay wa~ tested with a more powerful coil  
Actions and Results Achieved A. The thermal overload settings for all four of the engineered  
. installed to ensure the CHP and CHR relays configured with nine, ten or eleven normally closed contacts would perform their function under a 11 design parameters.
safeguards  
: 3. New more powerful coils were installed in CHP and CHR relays configured with nine, ten or eleven normally closed contacts.
room cooling fans were reanalyzed, revised, and tested. The new settings were implemented  
: 4. A note was added to the CHP and CHR electrical schematic diagram to indicate which coil must be installed depending upon the configuration of the relay:
using the specification  
: 5. Stock descriptions and the equipment data base for all CHP and CHR relays configured with nine, teh or eleven normally closed contacts were revised to indicate these relays require the more powerful coil.
change process which received a multi-disciplinary  
6
design review.
: 6. The vendor information explaining mechanical loading was added to the controlled vendor file.
2 B. Eight other thermal overload setting changes had been made using a "T-Frame" criteria ("T-frame" motors with a service factor of 1.0 using a Cutler-Hammer  
: 7. Lessons learned training was conducted for all systems, procurement and chemistry department engineers.
No. 789 relay). These setting changes were reviewed and it was found that the measured equipment  
Included in the training was the need to adequately identify critical characteristics and perform comprehensive testing of the installed configuration.
running current was sufficiently  
CORRECTIVE ACTIONS TO BE TAKEN TO AVOID FURTHER NONCOMPLIANCE I. Design control, maintenance and procurement procedures are being reviewed and revised as necessary to formalize the determination or review of critical characteristics.
below the overload setting. C. Additional  
: 2. Other convertible pole relays used in safety related applications are being identified to determine if any similar restrictions apply.
thermal overload setting changes and breaker changes made during 1993 (approximately  
DATE OF FULL COMPLIANCE Full compliance has been achieved.}}
40), other than the twelve "T-Frame" motors mentioned  
in corrective  
steps A and B above, were reviewed to ensure appropriate  
post maintenance  
testing was  
D. A review of all 480-volt safety related motors at Palisades  
where thermal overload heaters are applied was completed  
including  
a  
of running load amps (RLA). Adequate operability  
margins were verified for each motor by comparing  
the RLA at reduced voltage to the lowest possible heater trip setting. Safety related motor operated valves were not reviewed as part of this effort since the-thermal  
overloads  
for these motors are wired to annunciate  
only, not to trip the motors. E. To provide confidence  
in our setting specification  
methodology, a circuit protective  
device setting specification  
was requested  
from an independent  
design engineering  
organization  
for the engineered  
safeguards  
room fan motors and for five other power circuit protection  
schemes installed  
in the plant. This independent  
specification  
for the engineered  
safeguards  
room fan motors confirmed  
the preference  
for Hl046(A) heaters which were ultimately  
installed  
as described  
in A above. The independent  
specifications  
for the other protection  
schemes identified  
no other inadequate  
settings or inappropriate  
setting methodology.  
F. All setting sheet changes after  
2, 1993 are to be completed  
using the specification  
change procedures  
of the plant modification  
and design control process. Also effective  
after November 2, 1993, specification  
changes affecting  
safety related equipment  
or having the potential  
for impact on plant availability, are to be submitted  
to a multi-disciplinary  
design review effort as is typically  
conducted  
for facility changes. The multi-disciplinary  
design review requires a _dedicated  
design review team meeting. The purpose of the meeting is to assure a collective  
understanding  
of design purpose, proposed configuration, and physical and functional  
design requirements  
to be verified and assures that proper verification  
test methods are specified  
for determining  
operability.  
G. Internal correspondence  
with suggestions  
and considerations  
for appropriate  
post maintenance  
testing for implementation  
of setting sheet changes was completed  
and forwarded  
to the Electrical  
Maintenance  
Department.  
Administrative  
Procedure  
5.19, "Post Maintenance  
Testing," Revision 2, dated February 11, 1994, incorporated  
this guidance.
* H. Analyses were completed  
which evaluated  
the potential  
effect on the safeguards  
equipment  
assuming the safeguards  
room cooling fans failed to function during a postulated  
accident.  
The analysis indicates  
that the effect of the loss of the engineered  
safeguards  
room cooling fans indicate that the temperatures  
in the east and west safeguards  
rooms would continue to rise during the post accident condition  
following  
the onset of recirculation  
of the containment  
sump. It takes several days for the environmental  
qualification  
temperature  
of the most vulnerable  
equipment  
to be affected.  
I. The results of a multi-discipline  
review group's root cause analysis of this and other recent design deficiencies  
was the subject of quarterly  
technical  
staff training for engineers  
and work planners.  
'The completed  
training focused on the use of the formal design change process for implementing  
plant changes such as changes to circuit protective  
device. settings, the need to validate assumptions  
used in design  
as expected values of normal 'running current, and the need for valid and comprehensive  
post modification  
testing. Corrective  
Action to Avoid Future Non-Compliance  
A multi-discipline  
group was formed to review this event and others involving  
electrical  
design or modification.  
The multi-disciplinary  
group identified  
plant activities  
that could result in the implementation  
of design changes without proper design change controls.  
In particular, the review of maintenance  
and system engineering  
activities  
found that some activities  
had been implemented  
through the work order_process  
which may be design changes. Operability  
determinations  
were performed  
if safety related equipment  
was affected.  
However, these determinations  
concluded  
that existing plant conditions  
are acceptable.  
The possible design changes occurred in less than 1% of approximately  
1350 work orders reviewed.  
Longer term actions in the area of design control compliance  
to avoid further violations  
are ongoing and include the following:  
A. Engineering  
performance  
improvement  
initiatives  
are being defined and scheduled.  
These initiatives  
reflect needed improvements  
in the area of management  
and leadership, prioritization  
and planning, safety culture* and teamwork, assessment  
and human performance.  
These engineering  
initiatives  
are being integrated  
into an overall Palisades  
Performance  
Improvement  
Plan. 3 B. By June I, 1994 revisions  
to appropriate  
design control procedures  
will be completed  
outlining  
the requirements  
for a multi-disciplinary  
design review for all modifications  
affecting  
safety related equipment  
or having the potential  
for impact on plant availability .
C. By October 1, 1994 a review of protective  
device setting methodology  
and setting sheet implementation  
from a design control perspective  
will be completed  
to determine  
if any other weaknesses  
exist. Appropriate  
changes to existing design controls and protective  
device methodology  
4 will be implemented  
as required.  
The effort will include the review of our system protection  
setting methodology  
by an experienced  
engineering  
consultant.  
In addition, an engineering  
design guidance document will.be* developed  
for specifying  
circuit protective  
device settings.  
Date of Full Compliance  
Full compliance  
has been achieved.  
NRC VIOLATION  
-INADEQUATE  
DESIGN CONTROL MEASURES FOR THE SELECTION  
AND REVIEW FOR SUITABILITY  
OF PARTS, EQUIPMENT, AND PROCESSES  
ESSENTIAL  
TO SAFETY RELATED FUNCTIONS . II. 10 CFR 50, Appendix 8, Criterion  
III, requires in part that design contro 1 measures sha 17 be established-for  
the se 7ect ion and review for suitability  
of application, of parts, equipment, and processes  
essential  
to safety related functions.  
* * Contrary to the above, as of August 4, 1993, design control measures established  
for the selection  
and review for suitability  
of parts, equipment, and processes  
essential  
to safety related functions  
were* inadequate..  
Specifica77y, in 1990 containment  
high pressure and containment  
high radiation  
relays, equipment  
essential  
to safety related functions, were selected such that relays with nine or more normally closed contacts had an inadequately  
sized closing coil for operation  
under design conditions  
involving  
seismic events or minimum .,electrical  
voltage. As a result, from the 1990 refueling  
outage until August 4, 1993, the containment  
h_igh pressure*  
and containment  
high radiation  
actuation  
systems were not capable of performing  
their intended safety functions  
under certain design basis conditions, i.e., seismic events or minimal electrical  
voltage conditions.  
CPCo RESPONSE ADMISSION  
OF VIOLATION  
Consumers  
Power Company agrees with the alleged violation.
REASONS FOR VIOLATION  
This violation  
occurred as a result of an original plant design deficiency.  
While it is true that improperly  
qualified  
relays were installed  
in the containment  
high pressure (CHP) and containment  
high radiation (CHR) circuits during the 1990 refueling  
outage, the newly installed  
relays were the same model number relay and coil and the contacts were configured  
the same as the existing original plant Gonstruction  
relays. This deficiency  
was perpetuated  
by procurement  
and installation  
of identical  
replacement  
relays. The relay replacement  
qualification, also, was not adequate.  
Procurement  
of safety related equipment  
involves:  
1. Identification  
of critical design characteristics  
2. Identification  
of tests and/or analysis to verify that these critical design characteristics  
are satisfied  
3. Comparisqn  
of test results to acceptance  
criteria and/or review of analysis to ensure all critical design characteristics  
have been met. * Procurement  
of these relays failed to completely  
identify all critical design characteristics  
and, thus, system and component  
interface  
deficiencies  
were not identified.  
A contributing  
cause was the  
of mechanical  
loading factor information  
which would have identified*  
the number of normally closed contacts as a critical.  
design  
5 However, if the relays had been tested in the configuration  
in which they were to be installed  
and proper acceptance  
criteria had been identified, testing of the relay would have identified  
the system/component  
interface  
defi ci enci es* .. The analysis of this event is documented  
in Licensee Event Report LER 93-012, submitted  
November 24, 1993. CORRECTIVE  
ACTIONS AND RESULTS ACHIEVED 1. The original test relay was retested to ensure the CHP and CHR relays configured  
with eight or less normally closed contacts would perform their function under all design  
2. The original test relay tested with a more powerful coil . . installed  
to ensure the CHP and CHR relays configured  
with nine, ten or eleven normally closed contacts would perform their function under a 11 design parameters.  
* 3. New more powerful coils were installed  
in CHP and CHR relays configured  
with nine, ten or eleven normally closed contacts.
4. A note was added to the CHP and CHR electrical  
schematic  
diagram to indicate which coil must be installed  
depending  
upon the configuration  
of the relay: 5. Stock descriptions  
and the equipment  
data base for all CHP and CHR relays configured  
with nine, teh or eleven normally closed contacts were revised to indicate these relays require the more powerful coil. 6 6. The vendor information  
explaining  
mechanical  
loading was added to the controlled  
vendor file. 7. Lessons learned training was conducted  
for all systems, procurement  
and chemistry  
department  
engineers.  
Included in the training was the need to adequately  
identify critical characteristics  
and perform comprehensive  
testing of the installed  
configuration.  
CORRECTIVE  
ACTIONS TO BE TAKEN TO AVOID FURTHER NONCOMPLIANCE  
I. Design control, maintenance  
and procurement  
procedures  
are being reviewed and revised as necessary  
to formalize  
the determination  
or review of critical characteristics.  
2. Other convertible  
pole relays used in safety related applications  
are being identified  
to determine  
if any similar restrictions  
apply. DATE OF FULL COMPLIANCE  
Full compliance  
has been achieved.
}}

Latest revision as of 07:42, 6 January 2025

Forwards Response to Violations Noted in Insp Rept 50-255/93-26.Corrective Actions:Thermal Overload Settings for Four Engineered Safeguards Room Cooling Fans Reanalyzed, Revised & Tested
ML18059A879
Person / Time
Site: Palisades 
Issue date: 03/10/1994
From: Rogers D
CONSUMERS ENERGY CO. (FORMERLY CONSUMERS POWER CO.)
To:
NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM)
References
EA-93-277, NUDOCS 9403160364
Download: ML18059A879 (9)


Text

consumers Power l'OWERINli NllCHlliAN'S l'ROliRESS Palisades Nuclear Plant:

27780 Blue Star Memorial Highway, Covert, Ml 49043 March 10, 1994 Nuclear Regulatory Commission Document Control Desk Washington, DC 20555 David W. Rogers Plant Safety and Licensing Director DOCKET 50-255 - LICENSE DPR PALISADES PLANT - REPLY TO NOTICE OF VIOLATION - NRC INSPECTION REPORT No. 93026 NRC Inspection Report No. 93026, dated November 24, 1993, forwarded the results of a special unannounced safety inspection in the electrical design control area.

The inspection report identified an apparent violation of NRC requirements pertaining to the operability of engineered safeguards room cooler fans and containment high pressure and containment high radiation actuation relays.

The NRC's February 9, 1994 letter contained the Notice Of Violation for these two situations.

Our reply to the Notice of Violation is provided in the attachment to this letter.

fl

~17 ()). f2rc v..-,1..J.(.\\L

'~

David W.. Rogers Safety and Licensing Administrator CC Administrator, Region Ill, USNRC NRC Resident Inspector - Palisades Attachment 9403160364 940310 PDR ADOCK 05000255 Q

PDR A CMS' ENERGY COMPANY

CONSUMERS POWER COMPANY To the best of my knowledge, information and belief, the contents of this submittal are truthful and complete.

Sworn and subscribed to before me this lQ_ day of __:.M-=a:..:....r=ch_,__ __

' 1994.

Le Ann Morse, Notary Public Berrien County, Michigan Acting in V~n Buren County My commissjon expires:

February 4, 1997

[SEAL]

ATTACHMENT Consumers Power Company Palisades Plant Docket 50-255 REPLY TO NOTICE OF VIOLATION;.

NRC INSPECTION REPORT No. 93026 March 10, 1994 6 Pages

REPLY TO NOTICE OF VIOLATION NRC VIOLATION - INADEQUATE DESIGN CONTROL MEASURES APPLIED TO CHANGE THE ENGINEERED SAFEGUARDS ROOM COOLER FAN MOTOR THERMAL OVERLOADS I.

10 CFR Part 50, Appendix 8, Criterion III requires in part that design control measures shall provide for verifying or checking the adequacy of design, including necessary design reviews, calculational methods, or performance of a suitable testing program.

Contrary to the above, on M~y 3, 1993, the design control measures 1

  • applied to change the engineered safeguaPds room cooler fah motor thermal overloads were inadequate.

Specifically, the trip setpoints were set at or below the normal operating current and there was no adequate design review nor suitable testing to check the adequacy of the design.

Consequently, during the period from May 16 to June 5, 1993, the reactor was critical with the safeguards room cooler fans inoperable and incapable of performing their design function.

This degraded the operability of ECCS and containment cooling equipment such that those safety systems could not have performed their intended function under certain conditions,_ in this case, absent prompt manual actions including*

trouble shooting and repairing the engineered safeguards room cooler fan motor thermal overloads.

CPCo RESPONSE Admission of the Violation Consumers Power Company agrees with the alleged violation and has.Paid the civil penalty via letter -dated February 28, 1994.

Reason for the Violation The cause of the violation is attributable to (1) iriadequate d~sign control,*

(2) failure to confirm a design assumption in the calculation which was used.

as input to the setting specification, and (3) inadequate post maintenance testing.

The analysis of this event is documented in Lic~nsee Event Reports LER 93-008, submitted September 24, 1993, and LER 93-008-01, submitted November 24, 1993.

Corrective Actions and Results Achieved A.

The thermal overload settings for all four of the engineered safeguards room cooling fans were reanalyzed, revised, and tested.

The new settings were implemented using the specification change process which received a multi-disciplinary design review.

2 B.

Eight other thermal overload setting changes had been made using a "T-Frame" criteria ("T-frame" motors with a service factor of 1.0 using a Cutler-Hammer No. 789 relay). These setting changes were reviewed and it was found that the measured equipment running current was sufficiently below the overload setting.

C.

Additional thermal overload setting changes and breaker changes made during 1993 (approximately 40), other than the twelve "T-Frame" motors mentioned in corrective steps A and B above, were reviewed to ensure appropriate post maintenance testing was performed~

D.

A review of all 480-volt safety related motors at Palisades where thermal overload heaters are applied was completed including a mea~urement of running load amps (RLA).

Adequate operability margins were verified for each motor by comparing the RLA at reduced voltage to the lowest possible heater trip setting. Safety related motor operated valves were not reviewed as part of this effort since the-thermal overloads for these motors are wired to annunciate only, not to trip the motors.

E.

To provide confidence in our setting specification methodology, a circuit protective device setting specification was requested from an independent design engineering organization for the engineered safeguards room fan motors and for five other power circuit protection schemes installed in the plant. This independent specification for the engineered safeguards room fan motors confirmed the preference for Hl046(A) heaters which were ultimately installed as described in A above.

The independent specifications for the other protection schemes identified no other inadequate settings or inappropriate setting methodology.

F.

All setting sheet changes after Nov~mber 2, 1993 are to be completed using the specification change procedures of the plant modification and design control process. Also effective after November 2, 1993, specification changes affecting safety related equipment or having the potential for impact on plant availability, are to be submitted to a multi-disciplinary design review effort as is typically conducted for facility changes.

The multi-disciplinary design review requires a

_dedicated design review team meeting.

The purpose of the meeting is to assure a collective understanding of design purpose, proposed configuration, and physical and functional design requirements to be verified and assures that proper verification test methods are specified for determining operability.

G.

Internal correspondence with suggestions and considerations for appropriate post maintenance testing for implementation of setting sheet changes was completed and forwarded to the Electrical Maintenance Department.

Administrative Procedure 5.19, "Post Maintenance Testing,"

Revision 2, dated February 11, 1994, incorporated this guidance.

H.

Analyses were completed which evaluated the potential effect on the safeguards equipment assuming the safeguards room cooling fans failed to function during a postulated accident.

The analysis indicates that the effect of the loss of the engineered safeguards room cooling fans indicate that the temperatures in the east and west safeguards rooms would continue to rise during the post accident condition following the onset of recirculation of the containment sump.

It takes several days for the environmental qualification temperature of the most vulnerable equipment to be affected.

I.

The results of a multi-discipline review group's root cause analysis of this and other recent design deficiencies was the subject of quarterly technical staff training for engineers and work planners. 'The completed training focused on the use of the formal design change process for implementing plant changes such as changes to circuit protective device.

settings, the need to validate assumptions used in design ~uch as expected values of normal 'running current, and the need for valid and comprehensive post modification testing.

Corrective Action to Avoid Future Non-Compliance A multi-discipline group was formed to review this event and others involving electrical design or modification.

The multi-disciplinary group identified plant activities that could result in the implementation of design changes without proper design change controls.

In particular, the review of maintenance and system engineering activities found that some activities had been implemented through the work order_process which may be design changes.

Operability determinations were performed if safety related equipment was affected. However, these determinations concluded that existing plant conditions are acceptable.

The possible design changes occurred in less than 1% of approximately 1350 work orders reviewed.

Longer term actions in the area of design control compliance to avoid further violations are ongoing and include the following:

A.

Engineering performance improvement initiatives are being defined and scheduled. These initiatives reflect needed improvements in the area of management and leadership, prioritization and planning, safety culture*

and teamwork, assessment and human performance.

These engineering initiatives are being integrated into an overall Palisades Performance Improvement Plan.

3 B.

By June I, 1994 revisions to appropriate design control procedures will be completed outlining the requirements for a multi-disciplinary design review for all modifications affecting safety related equipment or having the potential for impact on plant availability.

C.

By October 1, 1994 a review of protective device setting methodology and setting sheet implementation from a design control perspective will be completed to determine if any other weaknesses exist. Appropriate changes to existing design controls and protective device methodology 4

will be implemented as required.

The effort will include the review of our system protection setting methodology by an experienced engineering consultant.

In addition, an engineering design guidance document will.be*

developed for specifying circuit protective device settings.

Date of Full Compliance Full compliance has been achieved.

NRC VIOLATION - INADEQUATE DESIGN CONTROL MEASURES FOR THE SELECTION AND REVIEW FOR SUITABILITY OF PARTS, EQUIPMENT, AND PROCESSES ESSENTIAL TO SAFETY RELATED FUNCTIONS II.

10 CFR 50, Appendix 8, Criterion III, requires in part that design contro 1 measures sha 17 be established-for the se 7ect ion and review for suitability of application, of parts, equipment, and processes essential to safety related functions.

Contrary to the above, as of August 4, 1993, design control measures established for the selection and review for suitability of parts, equipment, and processes essential to safety related functions were*

inadequate..

Specifica77y, in 1990 containment high pressure and containment high radiation relays, equipment essential to safety related functions, were selected such that relays with nine or more normally closed contacts had an inadequately sized closing coil for operation under design conditions involving seismic events or minimum.,electrical voltage.

As a result, from the 1990 refueling outage until August 4, 1993, the containment h_igh pressure* and containment high radiation actuation systems were not capable of performing their intended safety functions under certain design basis conditions, i.e., seismic events or minimal electrical voltage conditions.

CPCo RESPONSE ADMISSION OF VIOLATION Consumers Power Company agrees with the alleged violation.

REASONS FOR VIOLATION This violation occurred as a result of an original plant design deficiency. While it is true that improperly qualified relays were installed in the containment high pressure (CHP) and containment high radiation (CHR) circuits during the 1990 refueling outage, the newly installed relays were the same model number relay and coil and the contacts were configured the same as the existing original plant Gonstruction relays. This deficiency was perpetuated by procurement and installation of identical replacement relays.

The relay replacement qualification, also, was not adequate.

Procurement of safety related equipment involves:

1. Identification of critical design characteristics
2. Identification of tests and/or analysis to verify that these critical design characteristics are satisfied
3. Comparisqn of test results to acceptance criteria and/or review of analysis to ensure all critical design characteristics have been met.

Procurement of these relays failed to completely identify all critical design characteristics and, thus, system and component interface deficiencies were not identified. A contributing cause was the l~ck of mechanical loading factor information which would have identified* the number of normally closed contacts as a critical. design c~aracteristic.

5 However, if the relays had been tested in the configuration in which they were to be installed and proper acceptance criteria had been identified, testing of the relay would have identified the system/component interface defi ci enci es*..

The analysis of this event is documented in Licensee Event Report LER 93-012, submitted November 24, 1993.

CORRECTIVE ACTIONS AND RESULTS ACHIEVED

1. The original test relay was retested to ensure the CHP and CHR relays configured with eight or less normally closed contacts would perform their function under all design parameters~
2. The original test relay wa~ tested with a more powerful coil

. installed to ensure the CHP and CHR relays configured with nine, ten or eleven normally closed contacts would perform their function under a 11 design parameters.

3. New more powerful coils were installed in CHP and CHR relays configured with nine, ten or eleven normally closed contacts.
4. A note was added to the CHP and CHR electrical schematic diagram to indicate which coil must be installed depending upon the configuration of the relay:
5. Stock descriptions and the equipment data base for all CHP and CHR relays configured with nine, teh or eleven normally closed contacts were revised to indicate these relays require the more powerful coil.

6

6. The vendor information explaining mechanical loading was added to the controlled vendor file.
7. Lessons learned training was conducted for all systems, procurement and chemistry department engineers.

Included in the training was the need to adequately identify critical characteristics and perform comprehensive testing of the installed configuration.

CORRECTIVE ACTIONS TO BE TAKEN TO AVOID FURTHER NONCOMPLIANCE I. Design control, maintenance and procurement procedures are being reviewed and revised as necessary to formalize the determination or review of critical characteristics.

2. Other convertible pole relays used in safety related applications are being identified to determine if any similar restrictions apply.

DATE OF FULL COMPLIANCE Full compliance has been achieved.